Opinion
CASE NO. 1:97-CV-06261-LJO-SMS
07-02-2012
TEJON RANCH CO., a Delaware corporation; and TEJON RANCHCORP, a California corporation, Plaintiffs, v. UNITED STATES FISH & WILDLIFE SERVICE, et al., Defendants.
CHARLES L. COLEMAN III (CSB No. 65496) Holland & Knight LLP Attorneys for Plaintiffs CHARLES R. SHOCKEY U.S. Department of Justice (DC Bar No. 914879) Environment and Natural Resources Division, Natural Resources Section Attorney for Defendants
CHARLES L. COLEMAN III (CSB No. 65496)
Holland & Knight LLP
LAWRENCE R. LIEBESMAN (admitted pro hac vice)
Holland & Knight LLP
DAVID FRIEDMAN (CSB No. 141540)
Holland & Knight LLP
Attorneys for Plaintiffs
CHARLES R. SHOCKEY (D.C. Bar No. 914879)
U.S. Department of Justice
Natural Resources Section
Environment and Natural Resources Division
Attorney for Defendants
STIPULATION AND ORDER
EXTENDING DUE DATE FOR 37TH
SUPPLEMENTAL JOINT STATUS
REPORT FROM JULY 13, 2012 TO
JULY 18, 2012
WHEREAS, the undersigned parties, in their Joint Status Report #36 filed April 13, 2012 (Dkt. No. 111), indicated their intent to submit their next regular quarterly Joint Status Report (#37) on July 13, 2012; and
WHEREAS, undersigned counsel for defendant U.S. Fish & Wildlife Service, Inc. will be away from his office and unavailable between June 29, 2012 and July 13, 2012; and
WHEREAS, the parties are in agreement that it will be necessary and appropriate for their counsel to confer prior to preparing and submitting their next Joint Status Report (#37); and
WHEREAS, the parties are in agreement that no prejudice or undue delay would result if the parties were to submit their next Joint Status Report a few days after defendant's counsel has returned to his office and had an opportunity to review developments and confer with plaintiffs' counsel prior to the submission of the parties next Joint Status Report;
NOW, THEREFORE, the parties stipulate as follows as request that the Court so order:
1. The parties Joint Status Report #37, previously due to be filed July 13, 2012, may be filed no later than Wednesday, July 18, 2012.
IT IS SO STIPULATED.
Respectfully submitted this 13th day of April, 2012.
CHARLES L. COLEMAN III (CSB No. 65496)
Holland & Knight LLP
Attorneys for Plaintiffs
CHARLES R. SHOCKEY
U.S. Department of Justice (DC Bar No. 914879)
Environment and Natural Resources Division, Natural Resources Section
Attorney for Defendants
The parties having so stipulated, and good cause appearing , it is hereby ordered that the parties' next Joint Status Report in this matter shall be filed on or before July 18, 2012.
IT IS SO ORDERED.
_________________
Hon. Lawrence J. O'Neill
United States District Judge